TP Minds Asia is a leading independent #transferpricing forum in Asia Pacific region. With more than 200 international delegates
participating annually, they feature in-house transfer pricing leaders, top specialist advisors, and leading policymakers in the 21st
century stretched from over 20 industries.
We are delighted to announce our participation as exhibitors in TP Minds Asia 2019. Click
take a look at what they say about us! If you would like to meet or reconnect with the members of our team, please feel free to contact us
This year, TP Minds Asia aims to provide thorough understanding of key policy developments in both Asia-Pacific and globally, discuss
on recent digital economy challenges and the lowdown of financial transactions, explore the role of technology in the modern day
in-house tax function and the first round of transfer pricing documentation submission and share best practices when resolving
The conference showcases exclusive case studies, thought provoking keynotes, panel discussions, workshops & the best structured networking opportunities in the industry.
The event will be held for three days from 24-26 September 2019 in Novotel Singapore, Clarke Quay. Click here for details of the agenda.
Don't miss the opportunity to network with other transfer pricing practitioners and catch up with more than 50 expert speakers! If you
are one of our clients, we encourage you to take advantage of the discount available!
Please reach out to email@example.com to enjoy the discount.
Singapore is often a preferred location for setting up headquarters as the door to conduct business in Asia. The IRAS has released its views on how Singapore HQ's should plan and implement their transfer pricing framework. Want to know more? Read our article with our views on IRAS TP Guidelines for Singapore HQs.
The Malaysian Finance Bill 2020 incorporates transfer pricing-related changes to the current Income Tax Act, 1967 (“ITA”). The changes permit significantly greater authority to the Malaysia Inland Revenue Board (“MIRB”) and re-emphasises the importance of transfer pricing compliance, with effect from 1 January 2021.
The OECD guidance emphasised that, besides interest rates, all terms and conditions of the financing transactions (including the volume of debt) should be tested against the arm’s length principle.